Question 12: Do you support, object, or have any comments relating to the Climate Change Statement?

Showing comments and forms 31 to 60 of 61

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21820

Received: 12/03/2020

Respondent: Barford Parish Council

Representation Summary:

The claim that the GNLP plan aims to address climate change (Para 140-141 and policy statement) directly contradicts the policy of allocating and developing Village Cluster Sites (and the building on many other areas) in relation to transport requirements, loss of green field sites etc.

Full text:

Please see attached for full submission

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21831

Received: 16/03/2020

Respondent: Natural England

Representation Summary:

We welcome the Climate Change Statement and support the measures outlined in Table 5 GNLP coverage of climate change issues and recognition of the importance of GI in helping to achieve this. In addition to identifying which Plan policies support this issue, it would be useful to identify any aspects of policies which contribute to the opposite effect, and how these can be modified to help decarbonise future development, and therefore contribute to addressing climate change.

Full text:

Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
We support Broadland District, Norwich City and South Norfolk Councils’ preparation of a joint Local Plan to ensure a consistent approach to planning across the Greater Norwich area, with policies aligned with the revised National Planning Policy Framework (NPPF).

We have made detailed comments in this letter in relation to the following Greater Norwich Local Plan (GNLP) consultation documents:
 Draft Local Plan – Part 1 The Strategy
 Draft Sites Document
 Habitats Regulations Assessment of GNLP, December 2019
 Sustainability Appraisal and Strategic Environmental Assessment, January 2020

Natural England acknowledges that the findings of supporting documents including the draft Greater Norwich Water Cycle Study (WCS) (AECOM 2019) and the emerging Green Infrastructure and Recreational Impact Avoidance and Mitigation Strategy (GIRAMS) will need to be incorporated in the policies of the Local Plan and supporting documents, once these are finalised.
To summarise our response briefly, we broadly welcome the progress and development of aspects of the Local Plan and supporting documents to date, though Natural England is not yet satisfied that the relevant Plan polices will provide sufficient mitigation to ensure that there will be no adverse impacts to designated sites alone, and in-combination, through changes in water quality and resources and in regard to recreational disturbance, and to demonstrate that policies are sustainable.

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21847

Received: 12/03/2020

Respondent: Hempnall Parish Council

Representation Summary:

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified. Furthermore, it is stated that ‘growth in villages is located where there is good access to services to support their retention’, when this is rarely the case beyond providing a primary school with sufficient places or room for expansion. Many services are simply not located within the “village clusters” with many additional vehicle journeys being an inevitable consequence of such housing allocations. Therefore, these would be contrary to measures 2 and 3 of the Climate Change Statement.

By locating additional housing in “village clusters” there would be an increased need to travel, particularly by private car, due to the lack of viable and clean public transport. If Climate Change is seriously going to be addressed then it is unacceptable to allocate additional sites for housing in rural areas which are not at all, or poorly served by public transport. New housing must be located where jobs and a wide range of services are or can be provided.
Hempnall Parish Council has serious concerns about the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues. All new housing should have solar panels, be insulated to the highest standard and include features such as grey water capture.

Full text:

Please see attached for full submission

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21939

Received: 13/03/2020

Respondent: UEA Estates & Buildings

Agent: Bidwells

Representation Summary:

UEA are supportive of the consideration being given to ensuring that development is created to be resilient to the impacts of climate change. The UEA boasts some of the best climatic research in the country, being a leader in the field of environmental research, and is committed to replicating this success in how the campus and surrounding environment is managed and developed.

Following on from adopting a low energy/carbon agenda in the early 1990s, the UEA has sought to develop the campus in a way that reduces environmental impacts, through long-term planning. Examples of the UEA’s dedication to achieving low carbon development is The Enterprise Centre, which is the first large-scale building to achieve both Passivhaus Certification and BREEAM Outstanding, which result in it being one of the UK’s most sustainable academic buildings.

Accordingly, the design principles encompassed in the Climate Change Statement are supported. It will be sought, where viable and achievable to do so, to design GNLP0133-B, GNLP0133-C, GNLP0133-D, GNLP0133-E, and GNLP0140-C, to low carbon standards.

Full text:

Please see attached for full submission

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21964

Received: 13/03/2020

Respondent: Welbeck Strategic Land III LLP

Agent: Bidwells

Representation Summary:

Support, with comments
The strategic policy is considered to provide a framework to ensure communities developed and infrastructure delivered under
the plan will be resilient to the impacts of climate change.
The principles of the policy are, where relevant, all capable of being delivered / supported by the proposed development.

Full text:

On behalf of Welbeck Strategic Land III LLP, we are instructed to submit representations to the draft Greater Norwich Local Plan Regulation 18 (c) consultation. The representations are split into two, reflecting the two parts of the Greater Norwich Local Plan; the Strategy Document and the Sites Plan.

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 21981

Received: 16/03/2020

Respondent: Ms Carol Sharp

Representation Summary:

We cannot see how the proposed additional allocation of sites for housing in “village clusters” can be justified with regard to Climate change targets. You say there will be ‘Growth in villages is located where there is good access to services to support their retention’ Many services are simply not located within these “village clusters” and the additional journeys needed to access them would be contrary to measures 2 and 3 of the Climate Change Statement.

There is little detailed policy on the design of new housing in the draft Plan document, other than a
brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses include a detailed carbon assessment and are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.

We welcome the guidance of the Town and Country Planning Association Climate document which
states :
‘4.5.1 Local development plans must contain policies which, taken as whole, secure radical reductions in carbon dioxide emissions and that Local authorities must have an effective monitoring regime to ensure that there is clear evidence of progress on reducing carbon dioxide emissions, and this progress must be clearly recorded in their annual monitoring reports.’
The methodology to ensure this is not mentioned. As well as CO2, particulate matter (PM) (PM2.5 and PM10) that come off tyres and exhaust or nitrogen dioxide (NO2) gas are both major components of urban air pollution, long-term exposure them increases cardiovascular and respiratory diseases. Currently, there is no clear evidence of a safe level of exposure to PM below which there is no risk of adverse health effects.
The online air monitor at Castle Meadow shows significant increases in pollution levels in the last 2
months on last year’s figures.

Apart from vague statements about developments needing ‘to improve green infrastructure’ there is no mention of any urban tree planting, or any urban planting to help mitigate the increasing pollution in the city and help reach carbon targets.
Some more specifics would be useful, for example from the City of London’s current best practice, informed by scientific evidence, for using green infrastructure to reduce public exposure to road transport pollution.
https://www.london.gov.uk/sites/default/files/green_infrastruture_air_pollution_may_19.pdf
and the University of Surrey’s guide - Implementing Green Infrastructure for Air Pollution Abatement: General Recommendations for Management and Plant Species Selection
https://figshare.com/articles/Considerations_regarding_green_infrastructure_implementation_for_improved_air_quality/8198261/3
Tree planting throughout Norfolk must be encouraged. NNDC has pledged to plant 110,000 trees but
can find nothing proposed for the other councils.

We would like to see a timeline and specific targets for schemes. For example for all public buses and taxis in Norwich to be electric and a charging system similar to London for polluting vehicles using a LEZ (low emission zone) in the city. FOE say South Norfolk should aim to improve the current 16% commuter journeys by public transport, cycling, walking to 40%, and give Norwich a target of 70% of people commuting by public transport, cycling, and walking by 2030.

When cars are needed, they should be shared as much as possible. Only 11% of commuters share their car when commuting in the Norwich area. According to social enterprise Liftshare, best in class
employers have 40% of their staff sharing journeys to work.

Targets for for renewable energy generation are not mentioned. Currently the Norwich area has 7MW of renewable power and the South Norfolk area has 63MW matched with the best of similar local authority areas they would have 29MW and 251MW respectively. This is a minimum target to be achieved rapidly, and all local authorities should look to exceed it.

FOE recommend all councils identify both a councillor at cabinet level and a lead officer as Climate and Nature Champions who are required to publish a bi-annual independent and audited report to the public on progress in meeting climate change and nature targets.

Lastly please consider implementing the Friends of the Earth recommendations to secure sufficient resources to invest in the changes needed to restore nature and meet climate goals:
• Use legal and planning mechanisms such as Section 106 agreements, Community Infrastructure Levy and other mechanisms to fund climate actions and nature restoration projects.
• Raise money from the UK Municipal Bonds Agency for low carbon infrastructure.
• The Workplace Parking Levy (WPL) places a modest charge on employers providing 11 or more parking places, and invests the revenue in sustainable transport measures such as new tram routes, electric buses, cycling and public transport smartcards.

Full text:

Please see attached for full submission

Attachments:

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22018

Received: 15/03/2020

Respondent: Mulbarton Parish Council

Representation Summary:

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified due to the increase need to travel from Mulbarton for secondary education, employment and services plus the delivery of goods to the village.

Full text:

Please see attached for full submission

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22093

Received: 13/03/2020

Respondent: Watkin Jones Group

Representation Summary:

WJG support these objectives for creating a vibrant and inclusive area that is enhanced by new homes, infrastructure
and environment.

Full text:

See attached for full submission by Clare Droog on behalf of WJG

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22128

Received: 16/03/2020

Respondent: M Scott Properties Ltd

Agent: Strutt & Parker LLP

Representation Summary:

As previously outlined within our response to Question 6, Scott Properties is passionate about the need to address Climate Change and as such supports the Climate Change Statement that has been included within the Draft Strategy at paragraph 141.

Full text:

Please see attached for full submission

Attachments:

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22149

Received: 15/03/2020

Respondent: Chris and Linda Ball

Number of people: 2

Representation Summary:

The GNLP is flawed. It appears to pursue a political agenda rather than duly considering sensible and pragmatic issues and flouts national policy on climate change mitigation.
The recent Court of Appeal decision to rule the expansion of Heathrow unlawful because it didn’t take climate change commitments into account puts the proposed GNLP in a dubious position, given that its proposed higher levels of rural development would lead to increases in carbon emissions, which contravenes national planning policy to facilitate their reduction. This would inevitably lead to it being challenged on that basis. It could even be that a legal challenge would be upheld and the policy deemed unlawful.
We argue that the GNLP is a redundant document, given that the current Joint Core Strategy has only been in effect since 2014 and covers the period up to 2026. Certainly, the unexplained change in policy in the GNLP concerning rural development is startling and inappropriate.
One of the core strategies in the JCS was to locate housing and other growth primarily in and close to Norwich, with minimal new development to be permitted in rural areas. One of the stated reasons for the development of the NDR, at great public expense, was to help the distribution of traffic to and from new housing built inside its length and in the northeast growth triangle (as that is what the JCS pointed to). The GNLP consultation document abandons that policy and sacrifices the important protection the JCS gave rural communities against inappropriate development. The main justification for this appears to be the availability of primary school places in the “village clusters”. The issue of climate change is a much more important factor and appears to have been completely ignored despite the introduction stating that ‘the GNLP must also assist the move to a post-carbon economy and protect and enhance our many environmental assets.. This goal is completely undermined by the proposed policy.

Full text:

Paragraph 120 of the GNLP stresses the need for good access to services and facilities, but the decision to allocate up to 60 new houses to the village appears to be based almost entirely on the fact that the primary school has a number of vacancies. This is poor decision-making. The recent development of 24 houses in Barn Owl Close in Reedham has resulted in one person of school age moving into the village. Clearly, the provision of additional housing does not automatically guarantee increased take-up of school places.
Other services in the village are extremely limited. There is a doctors’ surgerg which is only open four half-days per week. There is a post office; it is only open three half-days per week. There is no free cash point. There is a village store; most people use it for odds and ends and do most of their shopping at supermarkets in Acle (six miles each way), Yarmouth (10 miles each way) or Norwich (16 miles each way), to which they drive or from which they have their groceries delivered.
There are no significant employment opportunities in Reedham. The current businesses are generally fully staffed and do not have plans for expansion and it is not a village that will ever attract new business because of its location and lack of access to good roads. Given the lack of employment opportunities within the village, there will be a massive increase of journeys from and to work for many of those living in any such new housing, as well as additional journeys by delivery vehicles. Paragraph 125 states the need for ‘a radical shift away from the use of the private car, with many people walking, cycling or using clean public transport.’ That is not feasible for people who live in Reedham, where 96% of journeys are made by private car due to the infrequency or unreliability of public transport. This may not be an issue if we ever reach a point where electric-powered cars predominate, but it’s a huge gamble to base policy on that happening within the lifetime of the GNLP.
Another significant issue with the increased road traffic the proposed additional development would cause, is that the road infrastructure in and around Reedham is poor and would not support the increased demand. The required road width for any road servicing 50 or more dwellings is 5.5 metres. Most of the roads within Reedham do not comply with this requirement. Mill Rd is 3.8 metres wide, narrowing to 3.2 - 3.3 metres in places. Church Road is 3.7 metres at its narrowest point, and only 4.4 metres at its intersection with Freethorpe Rd. Station Road beyond Barn Owl Close is 4.2 metres wide. The Hills is 4.2 metres wide.
Site Specific Objections:
GNLP1001
I object to GNLP1001:-
• Outside the development boundary for the village.
• Contrary to GNLP Policy 2 issue 1 as the site cannot provide “safe, convenient and sustainable access to on-site and local services and facilities including schools, healthcare, shops, leisure/community/faith facilities and libraries” without the use of a car.
• Contrary to GNLP Policy 7.4 347 as there is no safe walking route to school. As per the Discussion of Submitted Sites “Sites which do not have a safe walking route to school, or where one cannot be created, will not be considered suitable for allocation”. The Highways Authority has confirmed it is not feasible to provide an off-carriageway pedestrian facility to enable safe journeys to school.
GNLP3003
I object to GNLP3003:-
• Outside the development boundary for the village.
• Contrary to GNLP Policy 7.4 347 as there is no safe walking route to school. The Discussion of Submitted Sites states “Sites which do not have a safe walking route to school, or where one cannot be created, will not be considered suitable for allocation”. The Highways Authority has confirmed it is not feasible to provide a footway to enable safe journeys to school as there is no scope for improvements within the highway.
• The single entrance access is too narrow with no scope to widen. The Highways Authority has confirmed it is not feasible to provide a safe access as the carriageway is narrower than required for 2-way traffic and there is limited site frontage to the highway.
• The HELAA Conclusion states that Mill Road is “relatively lightly trafficked”. However, there is no evidence to support this statement.
General Objections:
The GNLP is flawed. It appears to pursue a political agenda rather than duly considering sensible and pragmatic issues and flouts national policy on climate change mitigation.
The recent Court of Appeal decision to rule the expansion of Heathrow unlawful because it didn’t take climate change commitments into account puts the proposed GNLP in a dubious position, given that its proposed higher levels of rural development would lead to increases in carbon emissions, which contravenes national planning policy to facilitate their reduction. This would inevitably lead to it being challenged on that basis. It could even be that a legal challenge would be upheld and the policy deemed unlawful.
We argue that the GNLP is a redundant document, given that the current Joint Core Strategy has only been in effect since 2014 and covers the period up to 2026. Certainly, the unexplained change in policy in the GNLP concerning rural development is startling and inappropriate.
One of the core strategies in the JCS was to locate housing and other growth primarily in and close to Norwich, with minimal new development to be permitted in rural areas. One of the stated reasons for the development of the NDR, at great public expense, was to help the distribution of traffic to and from new housing built inside its length and in the northeast growth triangle (as that is what the JCS pointed to). The GNLP consultation document abandons that policy and sacrifices the important protection the JCS gave rural communities against inappropriate development. The main justification for this appears to be the availability of primary school places in the “village clusters”. The issue of climate change is a much more important factor and appears to have been completely ignored despite the introduction stating that ‘the GNLP must also assist the move to a post-carbon economy and protect and enhance our many environmental assets.. This goal is completely undermined by the proposed policy.
The GNLP calculates housing needs based on the 2014 National Household Projection. It should use the 2016 National Household Projections and there is no acceptable excuse for not doing so. An ill thought-out strategy/proposal in our opinion.

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22184

Received: 16/03/2020

Respondent: Environment Agency (Eastern Region)

Representation Summary:

Climate Change Statement
We support the climate change statement. This should also refer to protecting habitats that are currently stores of carbon using environmental enhancement opportunities to increase storage of carbon for example rewetting appropriate habitats and tree planting within developments.

Full text:

Please see attached for full submission

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22241

Received: 16/03/2020

Respondent: ClientEarth

Representation Summary:

6. While we welcome many of the objectives set out in the “climate change statement”, including contributing to the delivery of national and local emissions targets, it is not clear why these have not been given the status of strategic policies, which would ensure that they are taken into account in the determination of planning applications.
7. Finally, having an effective monitoring framework is also a key part of ensuring that plan policies are achieving their intended impact. Clearly, to be effective, monitoring indicators need to do more than aim for a simple increase or reduction. They need to specify yearly targets that have been assessed in the policy development process as representing sufficient progress in contributing to the relevant emissions reduction target. Currently, on a number of themes, such as climate change, sustainable transport, renewable energy capacity and green infrastructure, the proposed indicators in the draft strategy do not achieve this.

Full text:

In September 2019, we wrote to the Greater Norwich planning authorities about the need to integrate emissions reduction objectives throughout local plan policy. We are therefore pleased to see a commitment in the draft strategy to ensure policies in the GNLP “contribute to meeting the national target to bring all greenhouse gas emissions to net zero by 2050, as well as helping to meet local targets, statements and plans” (p. 40). We also welcome the statement that “policies in the GNLP will need to contribute to national targets to reduce emissions [and] plan for transition to a post-carbon economy” and that mitigating climate change is “a cornerstone of the GNLP” (paras 82 and 86).
However, we are concerned that these commitments have not in fact been met in the development of the proposed plan policies. It is not sufficient that the plan merely includes policies “which address climate change mitigation” (as suggested at para 140). Plan policies taken as a whole must be “designed to secure that the development and use of land in the local planning authority's area contribute to the mitigation of climate change”.1 In this context, they must “contribute to radical reductions in greenhouse gas emissions” and “take a proactive approach” to mitigating climate change “in line with the objectives and provisions of the Climate Change Act 2008.”2
To comply with this obligation and the other law and policy requirements described in September letter, local planning authorities need to demonstrate that the proposed plan policies are expected to contribute to the mitigation of climate change. At a minimum, this means showing that the policies contribute to the delivery of the national 2050 target under the Climate Change Act 2008, which is a reduction in net greenhouse gas emissions of “at least 100%”.

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22275

Received: 16/03/2020

Respondent: Barton Willmore

Representation Summary:

Q12) Do you support, object, or have any comments relating to the Climate Change
Statement?
2.32 We support the principles of the Climate Change Statement, in particular the need to reduce
the need to travel, particularly by the private car, and by seeking to locate development in a
way that ensures it is close to everyday services and jobs. However, the Strategy as currently
drafted fails to do just that. It fails to direct development to the most sustainable locations,
simply rolling forward previous allocations, as opposed to identifying those locations that
have greatest access to facilities through a services and facilities audit. That audit should
inform a hierarchy of sustainable locations against which development should be targeted.
The A11 corridor, Cambridge – Norwich tech Corridor is also served by regular trains between
Norwich and Cambridge. The locations served by cycle facilities into the city centre, and with
direct access to railway stations in this corridor are far more likely to achieve the shift change
to non-car modes. To secure a modal shift there has to be genuine choice that is viable,
affordable and no more time consuming than the convenience of the private car.

Full text:

Full representations (with appendices) submitted in response to the current Regulation 18 consultation of the Greater Norwich Local Plan on behalf of Landstock Estates Ltd and Landowners Group Ltd.

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22397

Received: 16/03/2020

Respondent: Norwich Green Party

Representation Summary:

Statement contains warm words, but not integrated with other policies eg homes and strategic transport. There are strong inconsistencies between statement, evidence base and policies. The draft GNLP is an approach of 'carry on as before', when we are now in a climate emergency. There are no climate change policies, no targets, no quantification of what may be achieved. GNLP does not demonstrate compliance with legislation. The SA appraisal seems to show that the CC objective will not be met in a lot of cases eg DEFRA target in Clean Air Strategy for 30% transport emissions reduction by 2030. Climate change needs to stand equal with other policies including delivery. Setting a carbon budget which cannot be exceeded is a way forward. Longer submission is attached.

Full text:

For full representation and additional information submitted, please refer to the attached documents.

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22486

Received: 16/03/2020

Respondent: Highways England

Representation Summary:

Highways England welcomes the opportunities through land use policy to reduce the need to travel. By maximising these opportunities, such as remote working will reduce capacity pressures on the Strategic Road Network which is essential to ensure ongoing excellent connectivity and facilitate economic growth.
The polices should be sufficiently flexible to adjust to changing government policy, infrastructure needs and innovation, such as the evolving provision of electric vehicles, and provide sufficient measures/indices to monitor delivery at a local level with stretched targets. The referenced policy documents will likely change over the plan period. This link to Rising to the Climate Crisis - A Guide for Local Authorities on Planning for Climate Change (2018) is not available.

Full text:

Thank you for inviting Highways England to comment on the Regulation 18 Draft Review of the Greater Norwich Local Plan (GNLP), which is prepared jointly by three local authorities - Broadland District Council, Norwich City Council and South Norfolk Council through the Greater Norwich Development Partnership (GNDP). This document expresses our views on the Draft Strategy and Site Allocations for future development as mentioned in this GNLP.
Highways England is responsible for the operation, maintenance and improvement of the Strategic Road Network (SRN) in England on behalf of the Secretary of the State. In the area within and surrounding Norfolk, this relates to the A11 and A47 trunk roads.
Consequently, our comments on the draft Local Plan which are set out below are limited to those aspects/strategies which may have impacts related to these two trunk roads.

See attached

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22514

Received: 16/03/2020

Respondent: Broadland Green Party

Representation Summary:

Comment: Good to see reference to and use of the publication “Rising to the Climate Crisis – A Guide for Local Authorities on Planning for Climate Change”. The challenge will be to abide by the guidance. As the guide states, “Although the current National Planning Policy Framework contains strong policy on climate change, delivery on the ground through local plans has been relatively poor. Local plans in England are not dealing with carbon dioxide emissions reduction effectively, nor are they consistently delivering the adaptation actions necessary to secure the long-term resilience of local communities”. As the guide says in its introduction, “climate change is now the greatest challenge facing our society”. The recommendations therefore, need to be taken seriously and be a key reference in the future roll out of the GNLP.

Object and Comment: Bullet point 140 states how the NPPF requires local plans to "Support appropriate measures to ensure the future resilience of communities and infrastructure to climate change impacts" and to set strategic polices which address climate change mitigation and adaptation. The Climate Change Statement does not fulfil this requirement. The statement simply references other policies. It does not provide a comprehensive Climate Change Policy that can be practically applied in, for example, the case of planning applications. Given the climate emergency, a Climate Change Policy should be developed for the GNLP.

In a report to the Sustainable Development Panel, Norwich City Council, 15th January 2020, the Director of Place commented: “There is a disconnect between the vision, objectives and climate change statement and the actual policy substance needed to enable the plan to contribute significantly to the delivery of a low carbon future.”

Table 5 refers to the coverage of climate change issues including having an effective monitoring regime to ensure evidence on reducing carbon dioxide emissions, recorded against the Climate Change Act and other key national statutory and policy frameworks. It further states: “Our ambition is to reduce per capita emissions and thereby contribute to meeting the national target to bring all greenhouse gas emissions to net zero by 2050”.

There has to be more than a simple ambition. There needs to be pro-active measures and the monitoring of trends to ensure the GNLP strategy is working and the targets are met.

The methodology for assessing carbon emissions given in the Sustainability Appraisal is given in Box 2.2 (page 25):

“Development proposals which could potentially increase the Plan area’s
carbon emissions by 1% or more in comparison to the 2017 estimate would
be expected to have a major negative impact for this objective. Development
proposals which may be likely to increase the Plan area’s carbon emissions
by 0.1% or more in comparison to the 2017 estimate would be expected to
have a minor negative impact for this objective.”

Both the above scenarios will still result in an increase in carbon emissions whereas the imperative is to dramatically reduce emissions. The underlying carbon emission footprint must significantly decrease to meet national obligations.

In 2019, carbon budgets were produced for every UK local authority area with the support of the Tyndall Centre at UEA, known as SCATTER models, based on a UK budget calculated using climate equity principles from the Paris Agreement. A summary of the aggregated SCATTER budget for the Greater Norwich local authorities is given below:

[See table in attached document]

A significant step-change in the reduction of emissions is required if we are to reach the stated targets locally, nationally and to meet the Paris obligations. The following graph indicates the magnitude of the task.

[See graph in attached document]

In summary, to meet the UK’s Paris Agreement obligations carbon emissions in the GNDP area need to reduce by an average of 13.4% per year. Continuing at the current rate of emissions will mean using up our remaining carbon budget by 2026/27. These figures are best estimates and are supported by the UEA Tyndall Centre.

The draft GNLP is aspirational with fine sounding statements about combatting climate change but much more is needed than is currently in the draft plan. These are suggestions for serious consideration:

• Zero carbon development through building design to deliver the highest viable energy efficiency. Passivhaus standards, etc.
• Re-use of buildings and recycling of building materials.
• Minimising waste produced.
• Energy recovery.
• Promotion of decentralised energy through encouraging community-led initiatives such as the promotion of decentralised renewable energy.
• Reduce the need to travel, particularly by private car; and secure the highest possible share of trips made by sustainable travel.
• Encouraging development that utilises and promotes the use of sustainable transport.
• Developing a more integrated transport system using new technologies and the promotion of active travel and smarter choices.
• Securing land for local food sourcing and the promotion of allotments.

As stated in Rising to the Climate Crisis: “Action on climate change should be an integral part of the culture of plan-making and should be embedded and integrated into policy preparation. Only by treating climate issues as central to policy formulation will a local authority have effectively discharged its duty under the 2004 Planning and Compulsory Purchase Act. ”

Such policies also support other health and social objectives. Safe active travel, such as cycling, and local food sourcing, supports healthier lifestyles and social interaction at the same time as reducing carbon emissions.

Behaviour Change

There is no clear strategy for the required behaviour change to turn awareness into action. The 2008 Climate Change report for Norfolk recommended:
“Our behaviour change strategy should be unified under a strong, single sustainability brand for Norfolk that is readily recognised and promotes a clear message. We will need to include clear steps for engaging proactively with the wider local community to incentivise and reward behaviour change, working with community groups, schools, businesses and local partners.” (page 38).

“Norfolk is particularly vulnerable to the impacts of climate change, and has a higher carbon footprint per person than the UK average. We need to take action both to reduce our contribution to the problem and minimise our exposure to future risks.” (page 39).

We therefore recommend implementing the “Next steps” as stated in the 2008 report:
• Establish a wider Climate Change Partnership for Norfolk, with Sector Groups to address our strategic priorities, with clear governance and performance management arrangements to ensure we deliver.
• Develop a Behaviour Change Strategy, including detailed plans for community engagement.

Full text:

I attach the feedback from Broadland Green Party members on the GNLP Consultation.

Each section is identified but not all questions have been answered. However, all questions are included to maintain the numbering.

See attached

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22629

Received: 13/03/2020

Respondent: M Scott Properties Ltd

Number of people: 2

Agent: Bidwells

Representation Summary:

Support, with comments
Whilst there is support, in principle, for the proposed approach to infrastructure, particularly the need for key stakeholders to work collaboratively, the Delivery Statement should make it clear that infrastructure requirements will be proportionate to each development and based on clear assessments of need. In addition, the Delivery Statement should recognise the impact that significant infrastructure costs can have on the viability and deliverability of large strategic sites.

Full text:

On behalf of M Scott Properties Ltd we are instructed to submit representations to the Greater Norwich Local Plan Regulation 18 (c) consultation. The representations are split into two, reflecting the two parts of the Greater Norwich Local Plan; the Strategy Document and the Sites Plan, in respect of GNLP0337.

The attached document provides a complete record of the representations made on behalf of M Scott Properties Ltd.

The various technical studies referred to in the Representation and the Delivery Statement can be accessed in the attachments also.

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22658

Received: 16/03/2020

Respondent: Saxlingham Nethergate Parish Council

Representation Summary:

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified. Furthermore, it is stated that ‘growth in villages is located where there is good access to services to support their retention’, when this is rarely the case beyond providing a primary school with sufficient places or room for expansion. Many services are simply not located within the “village clusters” with many additional vehicle journeys being an inevitable consequence of such housing allocations. Therefore, these would be contrary to measures 2 and 3 of the Climate Change Statement.

By locating additional housing in “village clusters” there would be an increased need to travel, particularly by private car, due to the lack of viable and clean public transport. If Climate Change is seriously going to be addressed then it is unacceptable to allocate additional sites for housing in rural areas which are not at all, or poorly served by public transport. New housing must be located where jobs and a wide range of services are or can be provided.

In addition CPRE Norfolk is concerned by the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.

Full text:

Saxlingham Nethergate Parish Council met last week and considered their response to the current consultation.

They noted, considered and decided to fully endorse the response produced by CPRE in full (attached).

Q1 Please comment on or highlight any inaccuracies within the introduction

Please see our more detailed responses to the questions below, which make our concerns clear. In particular we have a major concern with the Draft Strategy as it makes no mention of using phasing for the delivery of new housing. We consider that any new sites allocated in the GNLP should be phased by being placed on a reserve list, and under phased development only built out when most of the existing JCS sites have been used. Inclusion of all the sites for immediate development will lead to developers “cherry-picking” the most profitable sites and newly allocated green field sites in less sustainable locations will be developed first, with even more land banking of currently allocated sites. In short, deliver the already allocated 82% of the 44,500 new homes, before giving permissions on the remaining 18%.

The current Local Plan, the Joint Core Strategy (JCS) was adopted in March 2011 with amendments adopted in January 2014: it has been in place for just over 6 years. When adopted, it was considered to be the blueprint for development in Norwich, Broadland and South Norfolk until 2026, and in doing so provided clear signals about where growth should and should not take place. In the introduction to the current consultation document it is stated that housing, jobs, services and infrastructure needs to be provided at the right time ‘and in the right places’. CPRE Norfolk questions how the response to this has changed so markedly since adoption of the JCS and well before that Local Plan was due to expire. In particular, the construction of the Broadland Northway (NDR) (noted in paragraph 7 of the introduction) was largely intended to help the distribution of traffic to and from new housing built inside its length and in the northeast growth triangle. Moreover, there was a clear focus for housing and other growth to be in and close to Norwich, with minimal new development to be permitted in the rural policy areas of Broadland and South Norfolk. The GNLP strategy seems to be contradicting the direction of travel envisaged in the JCS and appears to undermine the planning process. A great strength of the JCS is the protection it gave to the rural areas: this seems to be sacrificed in the GNLP Draft Plan.

Paragraph 6 of the Introduction is clear that ‘the GNLP must also assist the move to a post-carbon economy and protect and enhance our many environmental assets.’ It will be difficult if not impossible to meet these targets if new housing to the scale proposed in the draft strategy is dispersed across the rural areas of Broadland and South Norfolk. The main justification for this appears to be the availability of primary school places in the “village clusters”, whereas there are more important measures for sustainability which should be taken into account, including the number of car journeys and journeys by delivery vehicles to new housing, along with the associated congestion such vehicles will result in.

The introduction mentions in paragraph 25 that South Norfolk District Council will draw up its own South Norfolk Village Clusters Housing Site Allocations document. CPRE Norfolk is very concerned that by adopting such an approach this allocations document will not receive the same level of scrutiny as the main draft strategy document. We are also very concerned that the number of additional dwellings on top of the existing commitment of 1,349 houses is given as ‘a minimum of 1,200’. The use of the word ‘minimum’ is unnecessary and potentially very alarming, as in effect this gives no limit to the maximum number of houses which could be allocated in those “village clusters”. Given the draft plan provides enough committed sites ‘to accommodate 9% more homes than “need”, along with two “contingency” locations for growth’ (page 37) and does not include windfall developments in its housing totals, the word “minimum” should be replaced with “maximum” or “up to” as is the case with the figures for Broadland’s “village clusters”. Why is there this discrepancy in language between two authorities which are part of the same Local Plan: it appears to be inconsistent and illogical.

Q3 Please comment on or highlight any inaccuracies within the spatial profile.

Paragraph 41 states that ‘this GNLP needs to plan for additional housing needs above and beyond existing commitments based on the most up-to date evidence’. However, the calculations of housing need are based on the 2014 National Household Projections, which are not the most up-to date statistics, nor are they sufficiently robust to be used for such an important and far-reaching strategy. CPRE Norfolk admits that the 2014 figures are those which central Government expects to be used. However, several Local Planning Authorities, including North Norfolk District Council, are challenging the use of the 2014 figures, instead suggesting that the more up-to date 2016 National Household Projections should be used. CPRE Norfolk agrees that the GNLP needs to be based on the most up-to date evidence, and therefore requests the GNDP insists on using the 2016 National Household Projections. If the most recent ONS statistics had been used, current commitments are sufficient to cover housing needs to 2038.

Q6 Do you support or object to the vision and objectives for Greater Norwich?

A major concern is that the draft plan largely consists of a wish list, but lacks real targets or actions, particularly on the environment and climate change. For example, our environment is lauded but the draft plan notes in paragraph 37 that life expectancy for men in Norwich is 10.9 years lower in the most deprived areas compared to the least deprived. We cannot see any specifics within the draft plan as to how this shocking fact is to be addressed.

Paragraph 120 stresses the need for ‘good access to services and facilities’ for ‘our suburbs, towns and villages’. While this is provided in the first two categories of settlement there is insufficient provision or access to services in many of the settlements within the “village clusters”. The decision to allocate additional new housing beyond what is already allocated within the JCS is based almost solely on the existence of a primary school with available places or potential for expansion within the “cluster”. This does not amount to the provision of ‘good access to services and facilities’ and therefore this level of new housing in “village clusters” should not be permitted within the GNLP.

Paragraph 125 is perhaps the strongest argument for not allocating additional housing to “village clusters” within the GNLP. Clearly, there will be a major need for journeys from and to work for many of those living in any such new housing, in addition to additional journeys by delivery vehicles to this new housing. This paragraph states the need for ‘a radical shift away from the use of the private car, with many people walking, cycling or using clean public transport.’ For the majority of the plan period it is highly wishful thinking to think that ‘electric vehicles will predominate throughout Greater Norwich’. These additional journeys will not only add to the “carbon footprint” but will also add to congestion on the road network, affecting air quality and the wellbeing of residents. If the intention of the GNLP is to locate housing close to jobs, which we agree should be a major aim, then any additional allocations of housing should be located in or close to Norwich, where there are realistic opportunities to walk or cycle to work and to services, or to use public transport to do so. The existing allocations of housing within the JCS and to be carried forward to the GNLP will provide sufficient new accommodation close to other places of work in main towns and key service centres.

Paragraph 129 states: ‘greater efficiency in water and energy usage will have minimised the need for new infrastructure, and further reductions in carbon emissions will be delivered through the increased use of sustainable energy sources. New water efficient buildings will have also contributed to the protection of our water resources and water quality, helping to ensure the protection of our rivers, the Broads and our other wetland habitats.’ We strongly feel that it is imperative that Per Capita Consumption (PCC) of water is further reduced to below the Government’s prescribed 110 litres per person per day in order to deliver this statement in paragraph 129. East Anglia is the driest region in the UK: our aquifers, rivers and wetlands are already at breaking point, as are many of the region’s farmers, who are seeing their abstraction licences reduced or revoked. If more demanding standards to reduce PCC water consumption are not set as part of the GNLP, this will further adversely impact upon the environment, impacting on the Broads and wetlands, which in turn will impact the region’s aspirational growth for tourism and will severely impact the regional agricultural economy. To ensure that the water-supply to existing users is not compromised it is sensible to restrict the number of new houses to a level that realistically covers actual need, and this fact reinforces our case for phasing of housing and our questioning of the need for a higher than necessary buffer.

Paragraph 132 makes the claim that new quality development will be located to minimise the loss of green-field land. CPRE Norfolk strongly suggests that the best way to achieve this is not to allocate additional sites for housing in “village clusters”. Indeed, there are already sufficient allocated sites for housing in the JCS being proposed to be carried forward to the GNLP in the Norwich fringe parishes, main towns and key service centres to keep pace with the likely build rates of development. The exception to this should be any brownfield sites, particularly those within Norwich, which should be prioritised into a “brownfield first” policy. This should form part of a phased approach to new housing, so that existing allocations from the JCS and any brownfield sites should be developed before permitting any additional allocated sites to be built-out.
One effective way to prevent the unnecessary loss of much greenfield land would be to institute a green belt on the “green wedges” model around Norwich, as requested by 84 respondents and 1,912 petition signatories (currently at 2,200 signatures) calling for this according to the draft statement of consultation, September 2018, for the Stage A Regulation 18 Site Proposals and Growth Options consultation. CPRE Norfolk is very concerned that this proposal or option has been removed from the current consultation.

In conclusion for this question, we find that the vision and objectives contain serious flaws, especially in regard to the way in which they conflict with policies within the current Local Plan, which withstood the rigorous inspection process.

Q9 Do you support, object, or have any comments relating to the approach to Housing set out in the Delivery Statement?

This states that ‘this plan also provides choice and flexibility by ensuring there are enough committed sites to accommodate 9% more homes than “need”.’ CPRE Norfolk disagrees that such a high level of sites should be provided within the GNLP. As a starting point please refer to our response to Q3 where we argue that the insistence of the Government to use the 2014 National Household Projections should be challenged to ensure that the most up-to date figures are used instead. In addition, by proposing not to include windfalls in the buffer the over-allocation of unnecessary housing will be compounded further.

It is very disappointing that there is no mention of phasing as an option within the Draft Plan and Housing Delivery Statement, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%) have supported CPRE Norfolk on this issue and have signed a pledge to this effect. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward.

Q12 Do you support, object, or have any comments relating to the Climate Change Statement?

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified. Furthermore, it is stated that ‘growth in villages is located where there is good access to services to support their retention’, when this is rarely the case beyond providing a primary school with sufficient places or room for expansion. Many services are simply not located within the “village clusters” with many additional vehicle journeys being an inevitable consequence of such housing allocations. Therefore, these would be contrary to measures 2 and 3 of the Climate Change Statement.

By locating additional housing in “village clusters” there would be an increased need to travel, particularly by private car, due to the lack of viable and clean public transport. If Climate Change is seriously going to be addressed then it is unacceptable to allocate additional sites for housing in rural areas which are not at all, or poorly served by public transport. New housing must be located where jobs and a wide range of services are or can be provided.

In addition CPRE Norfolk is concerned by the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.

Q13 Do you agree with the proposed Settlement Hierarchy and the proposed distribution of housing within the hierarchy?

We supported the continuation of the settlement hierarchy as defined in the JCS. We wonder why and where the concept of “village clusters” has been introduced into the planning process. For many reasons they appear to be a flawed unsustainable concept. A real strength of the JCS was its inclusion of a Norwich Policy Area and Rural Policy Areas, and therefore we are very disappointed that this distinction has been abolished. The Rural Policy Areas gave real protection to the countryside: this is threatened by the introduction of the village cluster approach. This is another example of how the Draft GNLP contradicts the existing agreed Local Plan.

As noted above in our response to Q1 CPRE Norfolk has serious misgivings about the separation of the sites and allocations for new housing in the South Norfolk Village Clusters from the rest of the GNLP and its current consultation. In addition, we strongly object to the use of the open-ended statement that these South Norfolk “village clusters” will be allocated a ‘minimum’ of 1,200 houses, rather than giving a maximum number as is the case for the Broadland “village clusters”. If the reason for this separation is, as was given at the recent GNDP meeting of 6th January 2020, the lack of suitable sites coming forward in these South Norfolk “village clusters”, then this gives another good reason why the delivery of housing should be phased. Clearly the sites included in the JCS have undergone rigorous assessment and their inclusion in the Local Plan is an acknowledgement of their suitability for development. It makes absolute sense that these suitable sites should be developed first especially given the fact that any new sites coming forward are deemed to be unsuitable.

Paragraph 163d states that the strategy for location of growth ‘focusses reasonable levels of growth in the main towns, key service centres and village clusters to support a vibrant rural economy’, before suggesting that the approach to “village clusters” is ‘innovative’. The claim that providing new housing in such locations will support services is, we contend, largely illusory. Instead, additional new housing will lead to more car and delivery vehicle journeys, with residents travelling longer journeys to access the services they require such as health services and a supermarket. Given that the majority of any such new houses will be larger “family” homes, with children just or more likely to be of secondary or tertiary school or college age than of primary school age. This will have further impacts on carbon reduction due to the additional journeys needed to secondary schools or colleges.

It is clearly demonstrated in the table on page 80 of the 23 June 2017 GNDP Board Papers that the most reasonable option for the distribution of housing in terms of the environment (e.g. minimising air, noise and light pollution; improving well-being; reducing C02 emissions; mitigating the effects of climate change; protecting and enhancing biodiversity and green infrastructure; promoting the efficient use of land; respecting the variety of landscape types in the area; ensuring that everyone has good quality housing of the right size; maintaining and improving the quality of life; reducing deprivation; promoting access to health facilities and healthy lifestyles; reducing crime and the fear of crime; promoting access to education and skills; encouraging economic development covering a range of sectors and skill levels to improve employment opportunities for residents and maintaining and enhancing town centres; reducing the need to travel and promoting the use of sustainable transport modes; conserving and enhancing the historic environment and heritage assets; minimising waste generation; promoting recycling; minimising the use of the best agricultural land; maintaining and enhancing water quality and its efficient use) is Option 1: urban concentration close to Norwich. In terms of all these factors taken together the least desirable option as shown on this chart is Option 4: dispersal. We therefore strongly support urban concentration in and close to Norwich as the way forward, because it is best for the environment, minimising climate change and the well-being of residents.

There is very little economic evidence to suggest that cementing new housing estates on the edges of villages will bring any boost to local services, but rather they will put a strain on these services, where they exist.

We cannot understand why the table showing the same set of factors in the Interim Sustainability Appraisal for the GNLP on page 42 shows some different results from the table on page 80 of the 23 June 2017 GNDP Board Papers. While the most recent table confirms that overall urban concentration is a better option than dispersal, it is even clearer in the earlier version. The table on page 42 shows that urban concentration is better than dispersal in terms of: minimising air, noise and light pollution; improving well-being; reducing C02 emissions; mitigating the effects of climate change; protecting and enhancing biodiversity and green infrastructure; encouraging economic development covering a range of sectors and skill levels to improve employment opportunities for residents and maintaining and enhancing town centres; reducing the need to travel and promoting the use of sustainable transport modes. However, in terms of some of the other factors it seems that changes have been made to the table so that several options appear to be equal in terms of impacts, instead of showing what the earlier table demonstrated, which is that concentration was the best option and dispersal the least reasonable option.

Given the clear benefits and advantages from these documents for the environment, climate change and other areas, as well as other reservations around lack of sustainability and issues of delivery, we strongly urge the GNDP to remove the requirement for additional new sites for housing in the “village clusters” from the GNLP.

Q14 Do you support, object, or wish to comment on the approach for housing numbers and delivery?

Paragraph 145 claims that the strategy ‘is informed by consultation feedback’, yet chooses to ignore much from previous consultations even where such feedback was significantly in favour of a particular approach. An example of this is the position taken towards windfalls. Responses to the Stage A Regulation 18 Site Proposals and Growth Options consultation were significantly against (110 to 45) counting windfalls in addition to the additional (at that point 7,200) housing, and yet this has been ignored in the current draft plan consultation. By not counting windfalls in the calculation for housing numbers in table 6, there will be a resulting over-supply of houses, particularly if the out-of-date 2014 National Housing Projections are used. Windfalls are acknowledged as a reliable source of new housing and many Local Authorities do count them towards their housing targets: their contribution towards housing targets in the GNLP should lead to a reduction in the number of new sites which are allocated.

CPRE Norfolk also has specific concerns about the approach for housing numbers in the South Norfolk Village Clusters, as there is no total figure given for this new housing, but instead an open-ended ‘minimum of 1,200 homes’. This use of the word “minimum” needs to be removed and replaced by a “maximum” total, so that further potential over-supply is avoided. At best, the actual delivery of new housing in the plan area has just exceeded 2,000 dwellings per annum, with 1,500 being more typical. At this build-rate, current commitments cover actual housing need to 2038.

CPRE Norfolk wants to see sites allocated for housing in the existing plan (JCS) developed before any new sites that are likely to be added in to the emerging GNLP are built out. Although we understand that it will not be possible to prevent new sites being included in the plan, we are asking that these extra land allocations for housing are treated as phased development and that building should not occur on these sites until the current JCS sites have been used up. We think this is a sensible approach because not only does it protect the countryside, but also at current rates of house building there is enough land already allocated in the JCS to cater for the building that is likely to occur over the new Plan period.

There is very little evidence to show that increasing the amount of land on which houses can be built actually increases the rate at which they are built. All that happens is that developers ‘cherry-pick’ the most profitable sites, which are likely to be the newly allocated green field sites and that this will lead to even more land banking of currently allocated sites. This will also mean that many less sustainable (or as CPRE Norfolk would argue, unsustainable) sites for housing are developed rather than those with more sustainable locations. This would result in more pollution and congestion, with the negative consequences for the climate and climate change. It also means that expensive infrastructure which has been provided to facilitate new housing in the existing plan, could end up being an irrelevant and embarrassing white elephant.

It is disappointing that there is no mention of phasing as an option within the consultation document, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%)have supported CPRE Norfolk on this issue and have signed a pledge to this effect, which was included in the previous consultation, but ignored in the current draft Plan. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward. Clearly there is a democratic deficit: meaningful consultation should not ignore this volume of common-sense opinion.

Q18 Do you support, object or have any comments relating to the preferred approach to sustainable communities including the requirement for a sustainability statement?

Commenting on Policy 2 – Sustainable Communities, CPRE Norfolk questions the use of the words “as appropriate” in the policy’s introduction, as this means the requirements would be far too open to interpretation as to what is “appropriate” and therefore opportunities to ensure that ‘mitigating and adapting to climate change, [and] assisting in meeting national greenhouse gas emissions targets’ will be missed.

This concern is particularly relevant when considering how new housing development in the “village clusters” will fulfil the first requirement to ‘ensure safe, convenient and sustainable access to on-site and local services and facilities including schools, health care, shops, leisure/community/faith facilities and libraries.’ The rationale behind these “village clusters” appears to be mainly based on the availability and accessibility of a primary school. However, safe, convenient and sustainable access to the other features on this list are equally important. Adequate health care and shops simply are not available in these ways to many of the preferred new sites for housing in the “village clusters”, therefore giving further reasons why such sites should not be included in the GNLP.

There is a worrying disconnect between the aspirations in point 6 with the need to ‘manage travel demand and promote public transport and active travel within a clearly legible public realm’, and the imposition of additional new housing in “village clusters”. It is difficult if not impossible to see how residents of the majority of this new housing will be able to use active travel or public transport, due to the likely distances from workplaces and the lack of suitable public transport.

If additional new housing is developed in “village clusters” most of the working residents will not have ‘good access to services and local job opportunities’. Instead there will be an unsustainable increase in the number of journeys to and from work using private vehicles, which will not be electric-powered certainly for the majority of the plan period. It is very doubtful if additional housed will provide enough business to keep a village shop open, but they will definitely increase the number of journeys made for delivery and service vehicles, making this housing even more unsustainable.

If communities are to ‘minimise pollution’ as required to do so by point 8, it is imperative that no additional new housing is allocated to “village clusters”, as this would lead to an increase in petrol and diesel-powered vehicle journeys to and from such housing. This, along with the resultant increase in congestion, makes this additional housing highly undesirable.

Q19 Do you support, object or have any comments relating to the specific requirements of the policy?

We comment on various aspects of Table 8 relating to Policy 2.


Point 3, Green Infrastructure. The opening statement is: ‘Developments are required to provide on-site green infrastructure appropriate to their scale and location’. The three main benefits listed are biodiversity gain, promotion of active travel and the reduction of flood risk, which are key NPPF priorities.
The NPPF is also supportive of biodiversity on a more strategic scale, and the importance of ecological networks and Nature Recovery Networks. While Green Infrastructure is useful, and can play a role in these, it clearly has limitations in a wider role across the wider countryside, and in linking high designated nature conservation sites.
Point 5, Landscape, should recognise that valued landscapes often sit with good wildlife habitats. This is particularly the case for river valleys and the Broads. A strong message from the Environment Plan and the recommendations from the recent Landscapes Review is to make links between landscapes and wildlife, and not consider them in isolation. This is covered more fully in our response to Q21.
Point 9, Water. In our view it needs to be recognised that SUDS is not a silver bullet when dealing with flood risk. Areas of low-lying land with a high water-table can present a problem in ‘getting the water way’, and if it does manage to do that existing settlements can be put at risk.
A high level of growth puts a greater pressure on the capacity of Waste Water Treatment Works, both on the discharge of effluent into river systems, and on flood risk with foul water. This will be exacerbated by under or lagging investment in WWTW. Although not the responsibility of the Greater Norwich Authorities, their Annual Monitoring Reports (AMRs) should record and monitor incidents.

The statement in Point 9, Water - Key issues addressed by policy 2 states that: ‘Government policy expects local planning authorities to adopt proactive strategies to adapt to climate change, taking into account water supply and demand considerations. It allows local plans to set a higher standard of water efficiency than the Building Regulations where evidence justifies it. For housing development, only the higher Building Regulations standard for water prescribed by Government (110 litres per person per day) can [be] applied through local plans and more demanding standards cannot be set. If the potential to set more demanding standards locally is established by the Government in the future, these will be applied in Greater Norwich.’ The closing note at the bottom of the wording states: ‘Implementation of the standards for water efficiency will be supported by an updated advice note.’

We comment that it is imperative that Per Capita Consumption (PCC) of water is further reduced below the Government's prescribed 110 litres per person per day in order to deliver the statement made in Section 3, paragraph 129 which states: ‘Greater efficiency in water and energy usage will have minimised the need for new infrastructure, and further reductions in carbon emissions will be delivered through the increased use of sustainable local energy sources. New water efficient buildings will have also contributed to the protection of our water resources and water quality, helping to ensure the protection of our rivers, the Broads and our other wetland habitats.’ East Anglia is the driest region of the UK, our aquifers, rivers and wetlands are already at breaking point, as are many of the regions farmers who are seeing their abstraction licences reduced or revoked. If more demanding standards to reduce PPC water consumption are not set as part of the local plan, this will further adversely impact upon the environment, impacting upon the Broads and wetlands, which in turn will impact the regions aspirational growth for tourism and will severely impact the regional agricultural economy.

These pressures are further evidence as to why the amount of new housing should be tightly controlled.

Q21 Do you support, object or have any comments relating to the approach to the natural environment?

CPRE Norfolk supports further ‘development of a multi-functional green infrastructure network’. However, we have major concerns about how biodiversity net gain will be evaluated, assessed and measured, although it is recognised that at this point it is unclear as to what the legal requirements of this policy will be given the current progress of the Environment Bill.

Paragraphs 183 and 184 talk about the great weight placed on protecting the natural environment in Greater Norwich, but then there are no clear details on how this will be achieved. Provision of a Green Belt on a ‘green wedges’ model would go some way to addressing this.

This draft Plan takes a very narrow view on the NPPF and 25-Year Plan on policies for the natural environment, namely that strategy, aims and policies are restricted to considering only gain as seen through the prism of development. There is a duty to cooperate between Councils, and that should automatically happen. While implementation may be less direct, there should be a wider strategic vision that does support policies of the NNPF. CPRE Norfolk has a proposal for a Nature Recovery Network from the North Norfolk Coast to the east coast (including parts of the Broadland DC area), by the enhancement of the ecological network provided by our river systems, and supported by the environmental land management scheme. This includes a detailed planning and land management document for landscapes and wildlife relating to a Nature Recovery Network, which also include an AONB extension to the Norfolk Coast AONB into the full catchments of the twin North Norfolk rivers Glaven and Stiffkey.

Q22 Are there any topics which have not been covered that you believe should have been?

Yes, the decision to remove a possible green belt for Norwich on the green wedges (or other) model from the draft Local Plan is, in the opinion of CPRE Norfolk, unjustified, particularly bearing in mind the large degree of support it received in the earlier Stage A Regulation 18 Site Proposals and Growth Options consultation.

Q23 Do you support, object or have any comments relating to [the] approach to transport?

CPRE Norfolk supports the provision of new railway stations at Rackheath and especially Dussindale as outlined in paragraph 206.

We note the contradiction in the Transport for Norwich Strategy as reflected in Policy 4 – Strategic Infrastructure, when it aims ‘to promote modal shift’ by having ‘significant improvements to the bus, cycling and walking network’ on the one hand, but promotes ‘delivery of the Norwich Western Link road’ on the other. CPRE Norfolk fully supports the former set of aims while opposing the latter.

CPRE Norfolk supports ‘protection of the function of strategic transport routes (corridors of movement)’, and as part of this strongly suggests that no industrial development should be permitted on unallocated sites along such corridors of movement.

The desire to support ‘the growth and regional significance of Norwich Airport for both leisure and business travel to destinations across the UK and beyond’ surely contradicts the aspirations for addressing climate change stated within Section 4 of the draft GNLP?

Public transport provision needs to be improved and made affordable, not only between main towns and key service centres, but to and from smaller settlements. This is essential even without any further growth of these settlements, as many areas of rural Norfolk have become public transport deserts.

Q27 Do you support, object or have any comments to [the] approach to affordable homes?

CPRE Norfolk supports the affordable housing policy within Policy 5 – Homes. It is essential that the requirements of this policy are followed when progressing applications for housing on sites of 10 dwellings or more. Any policy which encourages the building of a greater proportion of affordable homes should be adopted. It is to be hoped that government policy will change further regarding viability tests so they become more transparent, so that it would be less easy for developers to evade their responsibilities to deliver affordable homes. More central government intervention is required if these needed homes are to be built. Ideally, affordable and social housing should be provided where needed as a stand-alone provision, and not be connected to private developers’ housing targets. Lessons must be learned from the history of poor delivery of affordable homes, to ensure that the policy to provide 28% or 33% affordable houses must be enforced. We support rural exception sites as a means of supplying needed local affordable and social housing. An approach based on the provision of stand-alone sites such as these, in our opinion is a far better method for addressing affordable and social housing needs.

Q34 Do you support, object or have any comments relating to the approach to employment land?

CPRE Norfolk while not agreeing with the allocation of so much green-field land for employment/economic use, it is essential that any such allocated sites are adhered to. This means that no exceptions should be made, particularly for larger businesses, to develop sites outside these allocated areas. If any such un-planned growth were to be permitted this would lead to further erosion of the area’s landscape and environment, along with issues regarding the sustainability of any such sites. A large amount of the land allocated in the JCS for employment use remains for use. The development of these sites should be prioritised before any new sites are added.

Q45 Do you support or object or wish to comment on the overall approach for the village clusters? Please identify particular issues.

“Village Clusters” appear to be an artificial concept, invented to justify the dispersal of housing into the countryside. It is difficult to understand the justification for changing the current settlement hierarchy within the JCS to that proposed in this draft plan, in particular by eliminating the JCS categories of Service Villages, Other Villages, smaller rural communities and the countryside, which provided opportunities for a more nuanced approach to housing allocation, appropriate to each category of community/settlement within their own setting, landscape and context. The “village cluster” approach is a relatively crude one, with much more of a ‘one size fits all’ approach. CPRE Norfolk is particularly disappointed to see that the current JCS settlement hierarchy is not even offered as an ‘alternative approach’ in the draft GNLP, and wishes to see this rectified.

Even if the “village clusters” are adopted it would still be important to limit these to the area within their settlement boundaries and to designate the remaining largely rural areas as “countryside”, which would then require a further policy similar to the current JCS policy 17: smaller rural communities and the countryside. It is a great regret that the Rural Policy Areas of the JCS will be eliminated in the GNLP, as these provided effective protection of the countryside from unnecessary development.

The different approach for “village clusters” in Broadland compared to those in South Norfolk is not acceptable given the emphasis on the GNLP being a strategic plan for the whole of Greater Norwich. The “village clusters” in Broadland and South Norfolk should be treated in the same way if they are to be included in the final GNLP. This means that a maximum number of new housing for both areas should be included in the GNLP rather than the current different approach/wording, by having Broadland’s “village clusters” providing ‘up to 480’ whereas South Norfolk is to provide ‘a minimum of 1,200’: both areas should have the same wording i.e. ‘up to …’. We are concerned that all of the “village clusters” in South Norfolk will not be scrutinised to the same degree as those in Broadland due to the separate South Norfolk Village Clusters Housing Site Allocations document.

CPRE Norfolk is concerned by the use of primary school catchments acting as ‘a proxy for social sustainability’, with apparently no other sustainability measures being taken into account when decided on the amount and location of housing within “village clusters”. This does not make the proposed allocated housing within “village clusters” sustainable as required by the NPPF. Other measures should be taken into account within the social, economic and environmental spheres.

Q46 Do you support or object or wish to comment on the approach for specific village clusters? Please identify particular issues.

We are concerned that all of the “village clusters” in South Norfolk will not be scrutinised to the same degree as those in Broadland due to the separate South Norfolk Village Clusters Housing Site Allocations document.

Q47 Do you support or object or wish to comment on the overall approach for Small Scale Windfall Housing Development? Please identify particular issues.

CPRE Norfolk feels that windfall development should be restricted to sites within settlement boundaries. Housing need is already catered for by other policies in the Plan. Windfall developments should also count towards overall housing targets.

Q48 Do you support or object or wish to comment [on] any other aspect of the draft plan not covered in other questions? This includes the appendices below. Please identify particular issues.

CPRE Norfolk does not understand why there has been a major change in direction and policy as to where new development should be allocated in the GNLP compared to the current JCS. The JCS was only finally fully adopted in January 2014, just over 6 years ago. In the JCS housing concentrated in and close to Norwich was agreed and supported by hugely expensive infrastructure projects, in particular the Northern Distributor Road (now known as the Broadland Northway), which was primarily constructed to distribute traffic form and to new housing developments on the northern fringes of Norwich and in the North-east Growth Triangle. It would be a massive and costly folly to change that policy to one which allowed for the dispersal of much housing across the rural areas of Broadland and South Norfolk, where there is insufficient infrastructure, services and public transport, which would mean such development would be unsustainable. This would only lead to more congestion and pollution, leading to problems in meeting carbon-reduction targets.

CPRE Norfolk wants to see sites allocated for housing in the existing plan (the JCS) developed before any new sites that are likely to be added in to the emerging GNLP are built on. Although we understand that it will not be possible to prevent new sites being included in the plan, we are asking that these extra land allocations for housing are treated as phased development and that building should not occur on these sites until the current JCS sites have been used up.

There is very little evidence to show that increasing the amount of land on which houses can be built actually increases the rate at which they are built. All that happens is that developers ‘cherry-pick’ the most profitable sites, which are likely to be the newly allocated green field sites and that this will lead to even more land banking of currently allocated sites.

It is very disappointing that there is no mention of phasing as an option within the consultation document, as this would help to prevent the worst excesses of unnecessary development. 69 Parish and Town Councils in Broadland and South Norfolk (over 38%) have supported CPRE Norfolk on this issue and have signed a pledge to this effect. With this groundswell of grassroots opinion making such a strong case, we urge the GNDP in producing the GNLP to consider phasing seriously as the most reasonable way forward.

We question the relevance of a plan whose horizon is 2038, which is likely to be reviewed and replaced on at least three occasions before its end-date, and we fear that on each of these occasions more unsustainable housing will be crammed in at the expense of the countryside. What is perhaps most disturbing is that so many people living in the area are not aware of the current JCS let alone the emerging GNLP, and that where citizens are engaged in the process seem to have their views discounted. For example, this is clear where the views of over 38% of the Broadland and South Norfolk Parish and Town Councils regarding the phasing of housing development are apparently ignored. Current consultation processes are not reaching the majority of people: perhaps a Citizens’ Assembly approach would be a means which would enable more people to be involved.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22694

Received: 16/03/2020

Respondent: Strutt & Parker LLP

Representation Summary:

[On behalf of Scott Properties Ltd]
18. As previously outlined within our response to Question 6, Scott Properties is passionate about the need to address Climate Change and as such supports the Climate Change Statement that has been included within the Draft Strategy at paragraph 141.

Full text:

Please find attached the following documentation forming a consultation representation for the Greater Norwich Local Plan: Stage C Regulation 18 Draft Strategy and Site Allocations on behalf of my colleague, Adam Davies.

- Completed document for the following documents and questions:
- Draft Greater Norwich Local Plan – Part 1 The Strategy
- Question 6
- Question 9
- Question 11
- Question 12
- Question 13
- Question 14
- Question 16
- Question 17
- Question 18
- Question 25
- Question 29
- Question 32
- Question 41
- Question 42
- Question 48
- Draft Local Plan – Part 2 Site Allocations
- Policy GNLP2136
- Greater Norwich Local Plan Interim Viability Study (November 2019)
- Proving Layout
- Parameter Plan
- Pedestrian Access Plan
- Highways Technical Note
- Vehicular Access Proposals
- Barley Close Pedestrian Link
- Utilities Assessment
- Flood Risk Technical Note
- Infiltration Testing
- Preliminary Surface Water Attenuation Calculations
- Bat Scoping and Activity Survey
- Great Crested Newt and Amphibian Survey
- Reptile Survey
- Arboricultural Survey
- Archaeological and Heritage Assessment
- Noise Assessment

Attachments:

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22724

Received: 16/03/2020

Respondent: Pegasus Group

Representation Summary:

The Climate Change Statement sets out the Council’s measures to support the transition to a post carbon future as set out in joint Royal Town Planning Institute (RTPI) and Town and Country Planning Association (TCPA) guidance. Our client supports and agrees with this approach to development and is confident that their site at Land off Norton Road, Loddon will assist in meeting the Council’s Climate Change reduction aspirations.
Loddon has a direct bus link to Norwich city centre and its public transport hubs (including Norwich Train Station). These excellent connections offer sustainable travel options to major employment hubs and recreation/leisure destinations in Norwich and further afield. The settlement also possesses a wide range of shops, services including a high school, medical centre, library, public houses and employment opportunities, such as at the Loddon Industrial Estate. Therefore, services and jobs can be accessed sustainably either on foot, by cycle or by public transport; reducing the need for travel by private car.
It should also be noted that Environment Agency mapping shows that the site is within Flood Zone 1 and therefore at very low risk from flooding from surface water and aligns with the GNLP in minimising flood risk through the location of development.

Full text:

See summaries for responses

- GNLP Regulatory 18 Consultation Questions- Land off Norton Road, Loddon
- GNLP Regulatory 18 Consultation Questions- Dairy Farm, Thorpe End

Introduction
These representations are submitted on behalf of our client Halsbury Homes Ltd in response to the Greater Norwich Local Plan (GNLP) Regulation 18 Consultation.
Our client is promoting Land off Norton Road, for residential development in the GNLP.

Object

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22761

Received: 16/03/2020

Respondent: Mr Bryan Robinson

Representation Summary:

I again support the CPRE Norfolk position that ‘the GNLP must also assist the move to a post-carbon economy and protect and enhance our many environmental assets’ (draft GNLP consultation p7.) It will be difficult if not impossible to meet these targets if the new housing targets and dispersal of sites proposed in the draft strategy are adopted. Dispersal of development increases the number of car journeys and journeys by delivery vehicles to new housing, along with the associated congestion on smaller rural roads.

In addition, CPRE Norfolk is concerned by the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.

Notwithstanding current Development Standards that specific percentages of energy provisions must be green, Councils are currently allowing developers to satisfy his requirement using calculations that the total energy usage is reduced by this percentage with the design of the houses. Both aspects should apply; the overall energy should be reduced and the green percentage applied to the reduced consumption.

The interdependence of all parts of everyday life has become ever more complicated. The current world coronavirus emergency highlights that greater analysis is required rather than simple unsubstantiated statements that a plan is sustainable. There are many variable factors outside the control of the plan makers that should but have not been considered.

Sustainability is ensuring future generations can enjoy a better quality of life than the current populations. It must be obvious that recent polices have derogated the countryside, village life and town centres. New plans should identify new policies to reverse this decline but the consultation again ignores this aspect.

Full text:

For full representation, please refer to the attached document

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22785

Received: 16/03/2020

Respondent: Strutt & Parker LLP

Representation Summary:

Scott Properties is passionate about the need to address Climate Change and as such supports the Climate Change Statement that has been included within the Draft Strategy at paragraph 141.

Full text:

For full representation, please refer to the attached documents.

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22875

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments

The strategic policy is considered to provide a framework to ensure communities developed and infrastructure delivered under the plan will be resilient to the impacts of climate change.

The principles of the policy are, where relevant, all capable of being delivered / supported by the proposed development.
t.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0125, Land West of West Lane, Horsham St Faith.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22901

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.
UEA are supportive of the consideration being given to ensuring that development is created to be resilient to the impacts of climate change. The UEA boasts some of the best climatic research in the country, being a leader in
the field of environmental research, and is committed to replicating this success in how the campus and surrounding environment is managed and developed.

Following on from adopting a low energy/carbon agenda in the early 1990s, the UEA has sought to develop the campus in a way that reduces environmental impacts, through long-term planning. Examples of the UEA’s dedication to achieving low carbon development is The Enterprise Centre, which is the first large-scale building to achieve both Passivhaus Certification and BREEAM
Outstanding, which result in it being one of the UK’s most sustainable academic buildings.

Accordingly, the design principles encompassed in the Climate Change Statement are supported. It will be sought, where viable and achievable to do so, to design GNLP0133-B, GNLP0133-C, GNLP0133-D, GNLP0133-E, and GNLP0140-C, to low carbon standards.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation, in relation to GNLP0133-E, Land at UEA Grounds Depot Site, Bluebell Road.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22933

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.

UEA are supportive of the consideration being given to ensuring that development is created to be resilient to the impacts of climate change. The UEA boasts some of the best climatic research in the country, being a leader in the field of environmental research, and is committed to replicating this success in how the campus and surrounding environment is managed and developed.

Following on from adopting a low energy/carbon agenda in the early 1990s, the UEA has sought to develop the campus in a way that reduces environmental impacts, through long-term planning. Examples of the UEA’s dedication to achieving low carbon development is The Enterprise Centre, which is the first large-scale building to achieve both Passivhaus Certification and BREEAM Outstanding, which result in it being one of the UK’s most sustainable academic buildings.

Accordingly, the design principles encompassed in the Climate Change Statement are supported. It will be sought, where viable and achievable to do so, to design GNLP0133-B, GNLP0133-C, GNLP0133-D, GNLP0133-E, and GNLP0140-C, to low carbon standards.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation, in relation to GNLP0133-D, Land between Suffolk Walk and Bluebell Road.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22953

Received: 13/03/2020

Respondent: Bidwells

Number of people: 2

Representation Summary:

Support, with comments.

UEA are supportive of the consideration being given to ensuring that development is created to be resilient to the impacts of climate change. The UEA boasts some of the best climatic research in the country, being a leader in the field of environmental research, and is committed to replicating this success in how the campus and surrounding environment is managed and developed.

Following on from adopting a low energy/carbon agenda in the early 1990s, the UEA has sought to develop the campus in a way that reduces environmental impacts, through long-term planning. Examples of the UEA’s dedication to achieving low carbon development is The Enterprise Centre, which is the first large-scale building to achieve both Passivhaus Certification and BREEAM Outstanding, which result in it being one of the UK’s most sustainable academic buildings.

Accordingly, the design principles encompassed in the Climate Change Statement are supported. It will be sought, where viable and achievable to do so, to design GNLP0133-B, GNLP0133-C, GNLP0133-D, GNLP0133-E, and GNLP0140-C, to low carbon standards.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0133-C, Land North of Cow Drive (the Blackdale Building, adjoining Hickling House and Barton House).

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 22988

Received: 13/03/2020

Respondent: Bidwells

Representation Summary:

Support, with comments.

UEA are supportive of the consideration being given to ensuring that development is created to be resilient to the impacts of climate change. The UEA boasts some of the best climatic research in the country, being a leader in the field of environmental research, and is committed to replicating this success in how the campus and surrounding environment is managed and developed.

Following on from adopting a low energy/carbon agenda in the early 1990s, the UEA has sought to develop the campus in a way that reduces environmental impacts, through long-term planning. Examples of the UEA’s dedication to achieving low carbon development is The Enterprise Centre, which is the first large-scale building to achieve both Passivhaus Certification and BREEAM Outstanding, which result in it being one of the UK’s most sustainable academic buildings.

Accordingly, the design principles encompassed in the Climate Change Statement are supported. It will be sought, where viable and achievable to do so, to design GNLP0133-B, GNLP0133-C, GNLP0133-D, GNLP0133-E, and GNLP0140-C, to low carbon standards.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0133-B, Land adjoining the Enterprise Centre at Earlham Hall (walled garden and nursery).

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23016

Received: 13/03/2020

Respondent: Bidwells

Representation Summary:

Support, with comments

The strategic policy is considered to provide a framework to ensure communities developed and infrastructure delivered under the plan will be resilient to the impacts of climate change.

The principles of the policy are, where relevant, all capable of being delivered / supported by the proposed development.

Full text:

Please find attached a Regulation 18 Stage C Consultation Representation in relation to GNLP0520, Land South of Norwich Road, Hingham.

Attachments:

Support

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23072

Received: 16/03/2020

Respondent: Orbit Homes

Agent: David Lock Associates

Representation Summary:

The climate change statement is welcomed and supported. However, integral to achieving the
measures set out is providing the right type of development in the right places. The scale of new
settlements offer the potential to plan comprehensively to meet all components of sustainability
which is simply not achievable through small to medium scale sites. We contend that the
allocation of SGV would contribute significantly to achieving the measures in the climate change
statement given its potential for a substantial modal shift to public transport and its commitment
to creating a NetZero development from the outset. Most notably, attributing 15% of the housing
requirements (1,200 homes) to villages just within the South Norfolk area will not lend itself to
sustainable modes of travel or will help facilitate any significant investment in the delivery of
renewable or low carbon energy generation. We assert that in order to better align with the
Council’s climate change statement and provide certainty for future growth across South Norfolk,
as a minimum, this unallocated housing requirement should be met within SGV as part of a wider GV allocation, and the Plan should be much more proactive in seeking out opportunities for
development that will tackle the climate change challenge head on.

Full text:

For full representation, please refer to the attached documents.

Comment

Draft Greater Norwich Local Plan – Part 1 The Strategy

Representation ID: 23104

Received: 31/03/2020

Respondent: Salhouse Parish Council

Representation Summary:

Given the stated measures in the Climate Change Statement, it is impossible to see how the proposed additional allocation of sites for housing in “village clusters” can be justified. Furthermore, it is stated that ‘growth in villages is located where there is good access to services to support their retention’, when this is rarely the case beyond providing a primary school with sufficient places or room for expansion. Many services are simply not located within the “village clusters” with many additional vehicle journeys being an inevitable consequence of such housing allocations. Therefore, these would be contrary to measures 2 and 3 of the Climate Change Statement.
By locating additional housing in “village clusters” there would be an increased need to travel, particularly by private car, due to the lack of viable and clean public transport. If Climate Change is seriously going to be addressed then it is unacceptable to allocate additional sites for housing in rural areas which are not at all, or poorly served by public transport. New housing must be located where jobs and a wide range of services are or can be provided.
In addition CPRE Norfolk is concerned by the lack of any detailed policy on the design of new housing in the draft Plan document, other than a brief mention in the ‘Design of development’ in the Climate Change Statement. Detailed requirements to insist that new houses are built to the highest possible environmental standards beyond the Government’s minimum standards are needed, if serious steps are to be taken towards addressing Climate Change issues.
Local employment with reduced travel to work is only feasible for a single worker household model. Where there are two income earners in a household, it is unlikely that both will be able to work locally. This is a fundamental flaw of such policies.

Full text:

Please see attached for full submission
Note that Salhouse Parish Council largely endorses the comments by CPRE, and so we have integrated these comments into our response.

Attachments: